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Issues:
1. Interpretation of the exemption under section 5(1)(viii) of the Wealth-tax Act, 1957 regarding gold and silver ornaments. 2. Determination of whether the term "jewellery" includes gold and silver ornaments without precious stones. 3. Analysis of the retrospective amendments to section 5(1)(viii) and the impact on the exemption for gold and silver ornaments. Detailed Analysis: The judgment pertains to a reference under section 27(1) of the Wealth-tax Act, 1957, involving the interpretation of the exemption under section 5(1)(viii) regarding gold and silver ornaments. The case involved the assessment year 1971-72 and the valuation date of 30th October, 1970. The Tribunal accepted the assessee's appeal, ruling that gold and silver ornaments, distinct from jewellery, were not to be included in the net wealth as they were considered articles of personal use. The issue revolved around whether the exemption under section 5(1)(viii) applied to such ornaments. The interpretation of section 5 of the Act was crucial in determining the scope of exemption for assets like gold and silver ornaments. The Supreme Court's decision in CWT v. Arundhati Balkrishna highlighted the distinction between jewellery intended for personal use and general jewellery. Subsequent amendments to section 5(1)(viii) introduced the phrase "but not including jewellery" with retrospective effect from 1st April 1963. The addition of Explanation I in 1972 further clarified the definition of jewellery, including ornaments made of precious metals and stones. A divergence of opinions existed among High Courts regarding whether the term "jewellery" encompassed gold and silver ornaments without precious stones. The Gujarat, Allahabad, and Punjab & Haryana High Courts held that jewellery included such ornaments, while the Orissa and Calcutta High Courts took a contrary view. The High Court in this judgment aligned with the latter view, emphasizing that the ordinary meaning of jewellery did not cover ornaments without precious stones before the 1972 amendment. The analysis delved into the lexical definitions of "jewel" and "jewellery" to ascertain their contemporary interpretations. It was concluded that the term "jewellery" traditionally referred to ornaments with precious stones, excluding gold and silver ornaments without such stones. The retrospective nature of the amendments and the timing of the Explanation's inclusion underscored Parliament's intent to broaden the definition of jewellery only from 1972 onwards. Ultimately, the High Court upheld the Tribunal's decision to allow exemption for gold and silver ornaments under section 5(1)(viii) of the Wealth-tax Act, 1957. The judgment emphasized the restricted meaning of jewellery before 1972 and the legislative intent behind the retrospective amendments, thereby settling the issue in favor of the assessee.
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